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Res13 15305
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Res13 15305
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Last modified
10/11/2019 7:50:59 AM
Creation date
10/11/2019 7:50:44 AM
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Template:
CC Index
CC Index - Document Type
Resolution
Meeting Type
Special
Agency Type
City Council
Date
11/18/2013
Description
RESOLUTION DENYING THE APPEAL BY 605 MIDDLEFIELD ROAD LLC, AND MODIFYING THE SEPTEMBER 3, 2013 PLANNING COMMISSION ACTIONS, TO APPROVE THE TENTATIVE MAP, CONDOMINIUM PERMIT, PLANNED DEVELOPMENT PERMIT AND PLANNED COMMUNITY PERMIT, THE 525 MIDDLEFIELD ROAD PROJECT AS REVISED ON NOVEMBER 8, 2013, ALL PURSUANT TO THE CITY OF REDWOOD CITY'S DOWNTOWN PRECISE PLAN AND SUBDIVISION ORDINANCE
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��� � � � � � � 11/18/2013 <br /> IfUHI .!a 11�t„����� N i' "�,� <br /> WORLD•CLAI!►YYLIC TRANS/dRTATlON.NfALKA\L!COMNUNITIii. <br /> February 24, 2012 <br /> CEQA Guidelines Update <br /> c!o Christopher Calfee <br /> 1400 Tenth Street <br /> Sacramento, CA 95814 <br /> Re:Camments re CEQA Streamlining for Infill Projects (SB 226) <br /> Dear Mr. Calfee: <br /> Thank you for the opportunity to comment on the proposed guidelines for implementatian of Senate <br /> Bill 226 ("Proposed CEQA Guidelines"). This letter autlines aur major areas af support and concern <br /> with regard to the draft guidelines. We appreciate the opportunity to provide early input and we plan <br /> to continue refining these recommendations. <br /> Comments an Appendix M: Per�ormance Standards <br /> 1. Regional Vehicle Miles Traveled (VMT) is the correct framewark. <br /> We support the use of VMT as the primary metric far evaluating a project's eligibility for streamlining. <br /> Using Traffic Analysis Zones (TAZs) and comparing these to regional average VMT is a <br /> straightforward way to quickly identify areas that are appropriate for ir�ill development. As the draft <br /> proposal recognizes, even certain prajects in higher-VMT zones can reduce their VMT through <br /> project design elements, such as by praviding campact design, free transit passes or ur�undled <br /> parking. <br /> 2. Eligible r�idential projeats should be in very low VMT lacatians, or reduce their VMT to <br /> 75% or less of average VMT. <br /> SB 226 should not inadvertently increase VMT, but that is a possibility with the dr�ft guidelines. <br /> Projects that are in TAZs with per capita VMT levels that are 100%or more than the regional average <br /> should not be eligible for SB 226 benefits. <br /> SB 22B explicitly establishes as among its goals the"implementation of the land use and <br /> transportation palicies in the Sustainable Communities and Climate Protectian Act of 2008 (SB 375)" <br /> and the "reduction of greenhouse gas emissions under the California Global Warming Solutions Act <br /> af 2006 (Divisian 25.5, commencing with Section 3850�, of the Health and Safety Code) [AB 32]."' <br /> The transportation and land use sector is respansible for nearly 40%of the state's GHG emissions.2 <br /> This sector is the largest source of GHG emissions in the state. Policy reforms such as SB 226 which <br /> are aimed at furthering the gaals of AB 32 or SB 375 in the transpartation and land use sectar must <br /> not be allowed tn encourage or facilitate above average driving rates. These outcomes wauld run <br /> ' California Public Resources Code,Ch.469,SEG.7,Sec6on 21094.5.5(b) <br /> 2 See Clrmate Cha e " Plan, Air Resources Board 2008 and firxii s in Senate Bill 375 of 2008 <br /> • . <br /> 1 RESO.#15305 <br /> MUFF#603 <br />
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